HomeMy WebLinkAboutCC 8 CLAIM #83-25 11-07-83DATE:
10/31/83
CONSENT CALENDAR
No. 8
11-7-83
Inte -Com
FROM:
S UBJ EI:T:
HONORABLE MAYOR AND CITY COUNCIL
JAMES G. ROURKE, CITY ATTORNEY
CLAIMANT: DAVIDSON, LORA MAE;
FILED W/CITY: 7/5/83; CLAIM NO:
D/L: 4/24/83; DATE
83-25; CARL WARREN
After investigation and review it is recommended that the above-
referenced claim be rejected and the city Clerk directed to give
proper notice of the rejection to the claimant and to the
claimant's attorney.
JGR(F4.se)
Enclosure:
Copy of Claim
cc: OCCRMA
WILLIAM D. MORROW
DUFFY, GERMANN, OKAZAKI AND WELPUTT.
Attorneys at Law
19762 MacArthur Boulevard
Suite 200
Irvine, California 92715-2471
(714) 752-7311
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Attorneys for Claimant
In Re the Matter of the
Claim of LORA MAE DAVIDSON
-rs- )
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CITY OF TUSTIN )
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TO: CITY CLERK,. CITY OF TUSTIN
CLAIM FOR PERSONAL INJURIES
(Section 910 of the
Government Code)
LORA MAE DAVIDSON, by and throuqh her attorney,
WILLIAM D. MORROW, presents this claim to the City of Tustin
pursuant to Section 910 of the California Government Code.
The name and post office address of Lora Mae Davidson
is as follows:
Lora Mae Davidson
The post office address to which William D. Morrow
desires Notice of this claim to be sent to is as follows:
19762 MacArthur Boulevard
Suite 200
Irvine, California 92715-2471
(714) 752-7311
28 III
1 On or about March 24, 1983 at 14Q32 Woodlawn, Tustin,
2California, claimant sustained personal injuries when Jeffrey
3 Andre assaulted, struck, forced claimant to the ground, re-
4 strained claimant by use of "a rear wrist lock" and informed
5 claimant he was placing her under arrest. Mr. Andre's actions
6 were without justification of privilege and were in violation
7 of claimant's rights.
8 Claimant is info~ued and believes that at all times
9 relevant hereto, Jeffrey Andre was trained by, affiliated with
10 and an active participant in the Tustin Police Department's
Explorer program.
12 As a direct and proximate result of Mr. Andre's wrongful
13 conduct, claimant suffered damage to'her physical and emotional
14' well,being and has been injured in her health, strength,
15 earning capacity and has sustained other general and special
16 damages.
17 So far as it is known to William D. Morrow, at the date
18 of filing this claim, Lora Mae Davidson, has incurred damage
19 in the amount.of Five Thousand Dollars ($5,000) due to the
20 aforesaid injuries.
At the time of presentation of this claim, Lora Mae
9~ Davidson, claims damages in the amount of Five Thousand Dollars
23 ($5,000) due to prospective injury and damages, computed on
24 the basis of the following:
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1) Medical expenses;
2) Therapy and treatment;
3) Loss of earning capacity;
4) Pain and suffering.
DATEDr Jun~ 30, 1983.
DUFFY, GERMANN, 0KAZAKI AND WELPUTT
WILLIAM D. MORROW
Attorneys for Claimant
LORA MAE DAVIDSON
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